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BEFORE THE RECEIVEC POSTAL RATE COMMISSION WASHINGTON, D.C. 20268-0001 Nov26 L/ 43 PM‘01 POSTAL RATE AND FEE CHANGES, 2001 ) 8~~:c’~~~~~~~ic~~~~~ol-l VAL-PAK DIRECT MARKETING SYSTEMS, INC. AND VAL-PAK DEALERS’ ASSOCIATION, INC. SEVENTH INTERROGATORIES AND REQUESTS FOR PRODUCTION OF DOCUMENTS TO UNITED STATES POSTAL SERVICE WITNESS LARAINE B. HOPE (VP/USPS-T31-39-43) (November 26, 2001) Pursuant to sections25 and 26 of the Postal Rate Commission rules of practice, ValPak Direct Marketing Systems, Inc. and Val-Pak Dealers’ Association, Inc. hereby submit interrogatories and document production requests. If necessary,please redirect any interrogatory and/or request to a more appropriate Postal Service witness. Respectfully submitted, John $! Miles WILLIAM J.OLSON,P.C. 8180 GreensboroDrive, Suite 1070 McLean, Virginia 22102-3860 (703) 356-5070 Counsel for: Val-Pak Direct Marketing Systems, Inc. and Val-Pak Dealers’ Association, Inc. CERTIFICATE OF SERVICE I hereby certify that I have this day served the foregoing document upon all participants of record in this proceeding in accordancewith Section 12 of the Rules of Practice. November 26, 200 1 2 VP/USPS-T31-39. Pleaserefer to your responseto VP/USPS-T31-8. In part d, you indicated that you computed the implicit coveragesfor letters and nonletters “using test year after rates revenue and test year unit costs.” a. What were (i) the amounts, and (ii) the source of the test year after rates (“TYAR”) revenuesfor letters and nonletters which you used to compute the implicit coveragesin your response? b. Did you compute unit revenuesto compare with unit costs, or did you compare total revenueswith total costs for letters and nonletters, respectively? If you computed unit revenuesto compare with unit costs, pleaseanswer questionsc through i. C. When computing unit revenues,please specify the volumes that you used for letters and nonletters, and state whether the volume which you used for nonletters either (i) counted and included both detachedaddresslabels (“DALs”) and the accompanying nonletter (i.e., covers or parcels), or (ii) omitted DALs from the volume used to compute unit revenues. d. e. If DALs were counted as part of the volume used to compute unit revenues: (i) Were they counted as letters or nonletters? (ii) How much of the revenue was attributed to the DALs? In your computation of TYAR unit cost for letters, did you include any costs, including but not limited to city carrier and rural carrier costs, that were attributable to the handling of DALs? 3 0) If not, please indicate how you excluded the volumes of DALs, and the associatedcosts thereof, from the city carrier and rural carrier database. (ii) If your computation of unit costs did include any costs that were attributable to DALs, please explain whether in your opinion the revenuesin the denominator of your implicit coverage calculation for letters is fully consistent with the costsused in the denominator. That is, if the revenuesfrom DAL mailings are never recorded as being from letters, why should any costs attributable to such mailings be distributed to and included in the unit cost of letters? f. In your computation of TYAR unit cost for letters, did the mail processing costs, and/or city carrier costs, and/or rural carrier costs include or exclude any costs from letter-shapedpieces that weighed more than 3.3 ounces? g. If your responseto the preceding interrogatory is to the effect that you included any costs attributable to letter-shapedpieces that weighed more than 3.3 ounces, then pleaseexplain whether you consider the inclusion of such costs to be consistentwith revenuesin the numerator of your implicit coveragecalculation; i.e., with revenuesbasedonly on letters that weighed less than 3.3 ounces. h. When you computed the TYAR unit cost for nonletters, did you include in those costs all mail processing costs, and/or all city carrier costs, and/or all rural carrier costs that were recorded as being attributable to the cost of handling DALs? 4 (9 If so, please indicate how you estimated the volumes of DALs, and the associatedcosts thereof, in the city carrier and rural carrier database,and transferred those costs from letters to nonletters. Also, please indicate the amount of the costs of DALs that you transferred from letters to nonletters. (ii) If your computation of unit costs for nonletters did not include any costs that were attributable to handling of DALs, please explain whether in your opinion the revenuesin the numerator of your implicit coverage calculation for nonletters is fully consistent with the costsused in the denominator. That is, if all revenuesderived from DAL mailings are recorded as being from nonletters, shouldn’t all of the costs attributable to such mailings - including the costs of DALs - be distributed to nonletters? i. If you consider your calculations of implicit coveragesfor letters and nonletters to contain any inconsistenciesas between your revenue figure in the numerator and your costs in the denominator, please provide recomputed implicit coverageswhich eliminate all such inconsistencies. If the data are msuffrcient to eliminate all such inconsistencies,please recompute and provide improved implicit coverageseliminating or reducing inconsistenciesto the extent that the available data allow, and indicate what additional data or information you would need to develop implicit coveragesfor letters and nonletters on a fully consistent basis. 5 VP/USPS-T31-40. Would you agree that, when computing implicit coverages,the revenue data used in the numerator and the cost data used in denominator should be as fully consistent as possible if the Commission is to rely on such implicit coveragesfor rate design purposes? If you do not agree fully, please explain any reservationsor disagreementthat you might have concerning the desirability of such consistency. VP/USPS-T31-41. In your responseto VPIUSPS/T31-10, you stated that “Standard ECR parcels must bear detachedaddresslabels (DALs), which renders them ineligible for special services, as specified in DMM E610.9.2.” What is there about DALs which renders Standard ECR parcels ineligible for special services? VP/USPS-T31-42. In your responseto VP/USPS-T31-12c, you stated that the ECR parcel rate category “is shape-based,and thus is consistentwith the way the Postal Service sorts and delivers mail. Parcels are a separatecomponent of the mail stream; thus, a rate design that recognizes ECR parcels as a separatemail stream, with a distinct rate, is very reasonableand logical.” a. Pleasedescribe all differences between “the way the Postal Service sorts and delivers” ECR flats accompaniedby DALs, and “the way the Postal Service sorts and delivers” ECR parcels, which are always accompaniedby DALs. 6 b. Pleaserefer to the responseto VP/USPS-T39-42. Would you agree that any unaddressedECR flats accompaniedby DALs are almost always handled separatelyfrom other flat-shaped mail that carriers casein DDUs? Please explain any disagreement. C. Pleasedescribe why ECR flats accompaniedby DALs would not also constitute a separatecomponent of the mailstream, similar to ECR parcels, which are always accompaniedby DALs. VP/USPS-T31-43. In your responseto VP/USPS-T31-22b, you statedthat “[a] change in the pas&roughs to increasethe Saturation nonletter averagerate by 0.2 cent and decreasethe Saturation letter averagerate by 0.2 cent would impact other rates as well as the overall ECR averageper piece increase.” a. What “other rates” would such a change impact, and by how much? b. How would such a change affect the “overall ECR averageper piece increase”? C. How would such a change affect the contribution to institutional costs from Standard ECR?